In opposition to the Tester Amendment, which would significantly delay regulatory implementation of the debit card swipe fee reforms enacted last year in the Dodd-Frank Wall Street Reform and Consumer Protection Act.

Submitted to the Department of Education on the Notice for Proposed Rulemaking for the Family Educational Rights and Privacy Act (FERPA). The comments articulate that the proposed regulations jeopardize important FERPA protections by expanding the...

To oppose efforts to delay, amend, or repeal the debit card swipe fee reforms enacted last year in the Dodd-Frank Wall Street Reform and Consumer Protection Act and regulatory implementation of these reforms by the Federal Reserve.

Given the broad coverage of these existing policies, regulations and oversight mechanisms, there is no need for the Securities and Exchange Commission to regulate the relationship between college and university employees and the institutions.

ACE and other organizations joined the National Association of College and University Business Officers in a commenting on proposed EPA rules for PCB use. The organizations said EPA should establish a use authorization for any PCB‐containing caulk...

The proposed regulation in many cases appropriately establishes the balance between disclosure that advances the public’s interest and a cumulative regulatory burden that diverts needed resources away from research. But ways should be considered to...

A proposal from AT&T would impose significant harm on colleges, universities and other users of large quantities of telephone numbers. ACE affirms the importance of the federal universal service program and recognizes the concerns that led the...

EPA has recognized, and sought to alleviate, the struggles of the higher education community in attempting to comply with ill-fitting regulations written for industrial applications. ACE and the NACUBO urge EPA to adopt the final rule in an...